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Case Law Details

Case Name : ITO Vs Axisline Investment Consultants Pvt. Ltd. (ITAT Kolkata)
Appeal Number : I.T.A. No. 408/Kol/2017
Date of Judgement/Order : 01/07/2019
Related Assessment Year : 2012-13
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ITO Vs Axisline Investment Consultants Pvt. Ltd. (ITAT Kolkata)

The case of ITO vs. Axisline Investment Consultants Pvt. Ltd. before the ITAT Kolkata pertained to the Assessment Year 2012-13, where the Revenue contested the deletion of an addition of Rs. 1,54,00,000/- under section 68 of the Income Tax Act. The addition was made by the Assessing Officer (AO) on the grounds that the assessee company failed to substantiate the identity, genuineness, and creditworthiness of its share subscribers.

Axisline Investment Consultants Pvt. Ltd., in its first year of incorporation, reported receiving share capital of Rs. 7,12,000/- and a premium of Rs. 1,46,88,000/-, totaling Rs. 1,54,00,000/-. The AO, upon issuing notices and summons to verify the legitimacy of these transactions, found that the directors of the share-subscribing companies did not appear before him. Consequently, he treated the entire amount as undisclosed income under section 68.

In response, Axisline submitted various documents including confirmation letters from share applicants, their audited financial statements, income tax returns, and proofs of payment via banking channels. Despite these submissions, the AO maintained that the onus of proving the genuineness of the transactions was not adequately discharged due to the absence of the directors during proceedings.

Upon appeal, the Commissioner of Income Tax (Appeals) (CIT(A)) reviewed the case and deleted the addition, citing that Axisline had sufficiently proven the identity, genuineness, and creditworthiness of the share subscribers through documentary evidence and compliance with statutory requirements.

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